Public Disclosure Authorized
Public Disclosure Authorized
Public Disclosure Authorized
Public Disclosure Authorized
57931
APEC
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Additional copies of Doing Business 2011: Making a Difference for Entrepreneurs, Doing Business 2010: Reforming through Difficult Times, Doing Business 2009, Doing Business 2008, Doing Business 2007: How to Reform, Doing Business in 2006: Creating Jobs, Doing Business in 2005: Removing Obstacles to Growth and Doing Business in 2004:Understanding Regulations may be purchased at www.doingbusiness.org. ISBN: 978-0-8213-7960-8 E-ISBN: 978-0-8213-8630-9 DOI: 10.1596/978-0-8213-7960-8 ISSN: 1729-2638 Library of Congress Cataloging-in-Publication data has been applied for. Printed in the United States
Current features News on the Doing Business project http://www.doingbusiness.org
Rankings How economies rank-from 1 to 183 http://www.doingbusiness.org/rankings/
Reformers Short summaries of DB2011 reforms, lists of reformers since DB2004
Contents Introduction and Aggregate Rankings
1
Starting a Business
3
Dealing with Construction Permits
7
Methodology and research The methodologies and research papers underlying Doing Business
Registering Property
11
http://www.doingbusiness.org/Methodology/
Getting Credit
15
Download reports Access to Doing Business reports as well as subnational and regional reports, reform case studies and customized country and regional profiles http://www.doingbusiness.org/reports/
Protecting Investors
19
Paying Taxes
22
Trading Across Borders
26
Enforcing Contracts
32
Closing a Business
36
5- Year Measure of Cumulative Change
40
Doing Business 2011 Business Reforms
41
and a ranking simulation tool http://www.doingbusiness.org/reforms/
Historical data Customized data sets since DB2004 http://www.doingbusiness.org/custom-query/
Subnational and regional projects Differences in business regulations at the subnational and regional level http://www.doingbusiness.org/subnational-reports/
Law Library Online collection of business laws and regulations relating to business and gender issues http://www.doingbusiness.org/law-library/
http://wbl.worldbank.org/ Local partners More than 8,200 specialists in 183 economies who participate in
Doing Business http://www.doingbusiness.org/Local-Partners/Doing-Business/
Business Planet Interactive map on the ease of doing business http://rru.worldbank.org/businessplanet
Doing Business 2011: Making a difference for entrepreneurs is the eighth in a series of annual reports investigating regulations that enhance business activity and those that constrain it. Doing Business presents quantitative indicators on business regulations and the protection of property rights that can be compared across 183 economies, from Afghanistan to Zimbabwe, over time. A set of regulations affecting 9 stages of a business ’s life are measured: starting a business, dealing with construction permits, registering property, getting credit, protecting investors, paying taxes, trading across borders, enforcing contracts and closing a business. Data in Doing Business 2011 are current as of June 1, 2010*. The indicators are used to analyze economic outcomes and identify what reforms have worked, where, and why. The Doing Business methodology has limitations. Other areas important to business such as an economy ’s proximity to large markets, the quality of its infrastructure services (other than those related to trading across borders), the security of property from theft and looting, the transparency of government procurement, macroeconomic conditions or the underlying strength of institutions, are not studied directly by Doing Business. To make the data comparable across economies, the indicators refer to a specific type of business, generally a local limited liability company operating in the largest business city. Because standard assumptions are used in the data collection, comparisons and benchmarks are valid across economies. The data not only highlight the extent of obstacles to doing business; they also help identify the source of those obstacles, supporting policymakers in designing reform. The data set covers 183 economies: 46 in Sub-Saharan Africa, 32 in Latin America and the Caribbean, 25 in Eastern Europe and Central Asia, 24 in East Asia and Pacific, 18 in the Middle East and North Africa and 8 in South Asia, as well as 30 OECD high-income economies as benchmarks. The following pages present the summary Doing Business indicators for APEC . The data used for this economy profile come from the Doing Business database and are summarized in graphs. These graphs allow a comparison of the economies in each region not only with one another but also with the “good practice” economy for each indicator. The good-practice economies are identified by their position in each indicator as well as their overall ranking and by their capacity to provide good examples of business regulation to other countries. These good-practice economies do not necessarily rank number 1 in the topic or indicator, but they are in the top 10. More information is available in the full report. Doing Business 2011: Making a difference for entrepreneurs presents the indicators, analyzes their relationship with economic outcomes and recommends reforms. The data, along with information on ordering the report, are available on the Doing Business website (www.doingbusiness.org). * Except for the Paying Taxes indicator that refers to the period January to December of 2009. Note: 2008-2010 Doing Business data and rankings have been recalculated to reflect changes to the methodology and the addition of new economies (in the case of the rankings).
1
APEC - Aggregate rankings
Economies are ranked on their ease of doing business, from 1 - 183, with first place being the highest. The ease of doing business index averages the economy's percentile rankings on 9 topics, made up of a variety of indicators, giving equal weight to each topic. The rankings are from the Doing Business 2011: Making a Difference for Entrepreneurs report, covering the period June 2009 to June 2010. * Singapore is shown as a benchmark.
2
Many economies have undertaken business registration reforms in stages—and often as part of a larger regulatory reform program. Among the benefits have been greater firm satisfaction and savings and more registered businesses, financial resources and job opportunities. A number of studies show that economies with higher entry costs are associated with a larger informal sector and a smaller number of legally registered firms. Some reform outcomes In Egypt reductions of the minimum capital requirement in 2007 and 2008 led to an increase of more than 30% in the number of limited liability companies. In Portugal the creation of One -Stop Shop in 2006 and 2007 resulted in a reduction of time to start a business from 54 days to 5. In 2007 and 2008 new business regi strations were up by 60% compared with 2006. In Malaysia the reduction of registration fees in 2008 led to increase of registrations by 15.8% in 2009. What does Starting a Business measure? Procedures to legally start and operate a company (number) Preregistration (for example, name verification or reservation, notarization) Registration in the economy’s largest business city Post registration (for example, social security registration, company seal) Time required to complete each procedure (calendar days) Does not include time spent gathering information Each procedure starts on a separate day Procedure completed once final document is received No prior contact with officials Cost required to complete each procedure (% of income per capita) Official costs only, no bribes No professional fees unless services required by law
Starting a Business : getting a local limited liability company up and running Rankings are based on 4 subindicators
25% Time Pr eregistration, registra tion a nd postregistr ation ( in c alenda r days)
25% Procedur es Pr ocedure is com plted when fina l document is rece ived
25% Cost As % of income per capita, no bribes included
25% Paid-in minimum capital Funds deposted in a bank or with a notary before registra tion, as % of income per capita
Paid-in minimum capital (% of income per capita) Deposited in a bank or with a notary before registration begins
Case Study Assumptions All information is readily available to the entrepreneur andthere has been no prior contact with officials All government and nongovernment entities involved in the process function without corruption The business: is a limited liability company , located in the largest business city conducts general commercial activities is 100% domestically owned has a start-up capital of 10 times income per capita has a turnover of at least 100 times income per capita has between 10 and 50 employees does not qualify for any special benefits does not own real estate
3
Procedures to start a business
This graph compares the number of procedures required before an entrepreneur can operate a business. * An economy with the fewest procedures is included as a benchmark.
Time to start a business (days)
This graph compares the number of days required before an entrepreneur can operate a business. * The economy requiring the least time is included as a benchmark.
4
Cost to start a business (% of income per capita)
This graph compares the costs to start a business. * An economy with the lowest cost is included as a benchmark.
Minimum capital to start a business (% of income per capita)
This graph compares the minimum capital an entrepreneur has to deposit before starting a business. * An economy with the lowest cost is included as a benchmark. 80 economies do not have minimum capital requirements. They are listed on the Doing Business website.
5
Starting a Business Across Regions
Region
Procedures (number)
Time (days)
Cost (% of income per capita)
Minimum Capital (% of income per capita)
APEC
7.2
25.5
9.1
9.0
East Asia & Pacific (EAP)
7.8
39.0
27.1
50.6
European Union (EU)
5.9
14.6
5.7
18.4
10.5
43.6
35.9
3.8
Organization for Economic Co-Operation and Development (OECD)
5.6
13.8
5.3
15.3
South Asia (SA)
7.1
24.6
24.5
24.1
Latin America
Average Number of Procedures to Start a Business (number)
6
In many economies, especially poor ones, complying with building regulations is so costly in time and money that many builders opt out. Builders may pay bribes to pass inspections or simply build illegally, leading to hazardous construction. Where the regulatory burden is large, entrepreneurs may tend to move their activity into the informal economy. There they operate with less concern for safety, leaving everyone worse off. In other economies compliance is simple, straightforward and inexpensive, yielding better results. Some reform outcomes In Burkina Faso, a one -stop shop for construction permits, “Centre de Facilitation des Actes de Construire”, was opened in May 2008. The new regulatio n merged 32 procedures into 15, reduced the time required from 226 days to 122 and cut the cost by 40%. Toronto, Canada revamped its construction permitting process in 2005 by introducing time limits for different stages of the process and presenting a unique basic list of requirements for each project. Later it provided for electronic information and risk -based approvals with fast -track procedures. Between 2005 and 2008 the number of commercial building permits increased by 17% , the construction value of new commercial buildings by 84%. What do es the Dealing with Construction Permits indicators measure? Procedures to legally build a warehouse (number) Submitting all relevant documents and obtaining all necessary clearances, licenses, permits and certificates Completing all required notifications and receiving all necessary inspections Obtaining utility connections for electricity, water, sewerage and a land telephone line Registering the warehouse after its completion (if required for use as collateral or for transfer of warehouse) Time required to complete each procedure (calendar days) Does not include time spent gathering information Each procedure starts on a separate day Procedure completed once final document is received No prior personal contact with officials
Dealing with Construction Permits: building a warehouse Rankings are based on 3 subindicators
33.3%
33.3% Co st
Procedures are completed upon recep tion of final documen t; p ermi ts, ins pect ions andut ilit y connection
A s % of income per capi ta, no brib es i ncl uded
33.3% Ti me Days to buil d a w arehouse i n main ci ty
Cost required to complete each procedure (% of income per capita) Official costs only, no bribes Case Study Assumptions The business: • is a small to medium-size limited liability company, located in the largest business city • is domestically owned and operated, in the construction business • has 60 builders and other employees. The warehouse : • is a new construction (there was no previous construction on th e land) • has complete architectural and technical plans prepared by a licensed architect • will be connected to electricity, water, sewerage (sewage system, septic tank or their equivalent) and one land phone line. • will be used for ge neral storage, such as of books. • will take 30 weeks to construct (excluding all delays due to administrative and regulatory requirements).
7
Procedures to deal with construction permits
This graph compares the number of procedures required for an entrepreneur to deal with construction permits. * The economy with the fewest procedures is included as a benchmark.
Time to deal with construction permits (days)
This graph compares the number of days required for an entrepreneur to deal with construction permits. * The economy requiring the least time is included as a benchmark.
8
Cost to deal with construction permits (% of income per capita)
This graph compares the costs to deal with construction permits. * The economy with the lowest cost is included as a benchmark.
9
Dealing with Construction Permits Across Regions Cost (% of income per capita)
Region
Procedures (number)
Time (days)
APEC
20.0
166.7
316.1
East Asia & Pacific (EAP)
19.0
167.2
168.7
European Union (EU)
17.0
199.2
77.4
Latin America
19.0
201.4
243.4
Organization for Economic Co-Operation and Development (OECD)
16.0
166.3
62.1
South Asia (SA)
18.0
241.0
2,039.2
Average Time to Deal with Construction Permits (days)
10
Ensuring formal property rights is fundamental. Effective administration of land is part of that. If formal property transfer is too costly or complicated, formal titles might go informal again. Doing Business records the full sequence of procedures necessary for a business to purchase a property from another business and transfer the property title to the buyer’s name. In the past 6 years 105 economies undertook 146 reforms making it easier to transfer propert y. Globally, the time to transfer property fell by 38% and the cost by 10% over this time. The most popular feature of property registration reform in these 6 years, implemented in 52 economies, was lowering transfer taxes and government fees. Some reformoutcomes Georgia now allows property transfers to be completed through 500 authorized users, notably banks. This saves time for entrepreneurs. A third of people transferring property in 2009 chose authorized users, up from 7% in 2007. Also, Georgia’s new electronic registry managed 68,000 sales in 2007, twice as many as in 2003. Belarus’s unified and computerized registry was able to cope with the addition of 1.2 million new units over 3 years. The registry issued 1 million electronic property certificates in 2009. What do es the Registering Property indicators measure? Procedures to legally transfer title on immovable property (number) Preregistration (for example, checking for liens, notarizing sales agreement, paying property transfer taxes) Registration in the economy’s largest business city Postregistration (for example, transactions with the local authority, tax authority or cadas tre) Time required to complete each procedure (calendar days) Does not include time spent gathering information Each procedure starts on a separate day Procedure completed once final document is received No prior personal contact with officials
Registering Property: transfer of property between 2 local companies Rankings are based on 3 subindicators
33.3%
33.3% Time Days t o trans fer property i n main cit y
Co st as % of pro perty value, no brib es i ncl uded
33.3% Pro cedu res Requi red s teps s o that p roperty can be o ccupied, sold , or used as coll ateral.
Cost required to complete each procedure (% of property value) Official costs only, no bribes No value added or capital gains taxes included Case Study Assumptions The parties (buyer and seller): • Are limited liability companies, 100% domestically and privately owned. • Are located in the periurban area of the economy’s largest business city. • Have 50 employees each, all of whom are nationals. • Perform general commercial activities. The property (fully owned by the seller): • Has a value of 50 times income per capita. The sale price equals the value. • Has no mortgages attached and has been under the same ownership for the past 10 years. • Is registered in the land registry or cadastre, or both, and is free of title disputes. • Is located in a periurban commercial zone, and no rezoning is required. • Consists of a 557.4 square meters (6,000 square feet) land and a 10 years old 2 -story warehouse of 929 square meters (10,000 square feet) located on the land. The warehouse is in good condition and complies with all safety standards, building codes and legal requirements. The property will be transferred in its entirety.
11
Procedures to register property
This graph compares the number of procedures required for an entrepreneur to register a property. * An economy with the fewest procedures is included as a benchmark.
Time to register property (days)
This graph compares the number of days required for an entrepreneur to register a property. * An economy with the least time is included as a benchmark.
12
Cost to register property (% of property values)
This graph compares the costs to register a property. * The economy with the lowest cost is included as a benchmark.
13
Registering Property Acoss Regions
Region
Procedures (number)
Time (days)
Cost (% of property value)
APEC
4.8
26.6
3.6
East Asia & Pacific (EAP)
5.0
86.7
4.1
European Union (EU)
5.0
35.2
4.8
Latin America
6.9
43.9
3.7
Organization for Economic Co-Operation and Development (OECD)
4.8
32.7
4.4
South Asia (SA)
6.3
99.8
6.9
Average Cost to Register a Property (% of propery value)
14
Through two sets of indicators, Doing Business assesses the legal rights of borrowers and lenders with respect to secured transactions and the sharing of credit information. The depth of credit information index measures rules and practices affecting the coverage, scope and accessibility of credit information available through either a public credit registry or a private credit bureau. Credit information systems mitigate the ‘information asymmetry’ in lending and enable lenders to view a borrower’s financial history (positive or negative), providing them with valuable information to consider when assessing risk. Credit information systems benefit borrowers as well, allowing good borrowers to establish a reputable credit history which will enable them to access credit more easily. The Legal Rights Index measures the degree to which collateral and bankruptcy laws protect the rights of borrowers and lenders and thus facilitate lending. Sound collateral laws will enab le businesses to use their assets, especially movable property, as security to generate capital while having strong creditor’s rights has been associated with higher ratios of private sector credit to GDP. Some reform outcomes China created a national onl ine registry for pledges of receivables. From January to May 2010, the Credit Information Center has reported more than 57,000 registrations representing loans with a value estimated at over US$1,500 billion. More than 30,000 SMEs benefited by being able t o access credit and securing their loans with account receivables. In 2008, when Zambia established a private credit bureau, its database initially covered about 25,000 borrowers. Thanks to a strong communication campaign and a central bank directive, coverage has grown 10-fold in the past 2 years, exceeding 200,000 by the beginning of 2010. What do the Getting Credit indicators measure? Strength of legal rights index (0–10) Protection of rights of borrowers and lenders through collateral laws Protection of secured creditors' rights through bankruptcy laws Depth of credit information index (0 –6) Scope and accessibility of credit information distributed by public credit registries and private credit bureaus Public credit registry coverage (% of adults) Number of individuals and firms listed in public credit registry as percentage of adult population Private credit bureau coverage (% of adults) Number of individuals and firms listed in largest private credit bureau as percentage of adult population
Getting Credit: collateral rules and credit information
62.5% S treng th of l ega l rig hts index Regulations on non possesso ry sec urity interests in movable property ( 0-1 0)
37.5% Dept h of credi t infor mat ion index (0 -6) Scop e, q uality and ac cessibility of credit inf ormatio n th rou gh p ublic and private credit regis tries
N ote : Private bureau coverage and p ublic credit registry coverage are m easured but do not cou nt f or the rankings .
Case Study Assumptions The Debtor is a Private Limited Liability Company has its Headquarters and only base of operations in the largest business city obtains a loan from a local bank (the Creditor) for an amount up to 10 times income (GNI) per capita 15
Credit Information
Economy
Depth of credit information index (0-6)
Public registry coverage (% of adults)
Private bureau coverage (% of adults)
* United Kingdom
6
0.0
100.0
* Portugal
5
67.1
16.3
* New Zealand
5
0.0
100.0
Malaysia
6
62.0
100.0
Peru
6
25.5
33.3
Korea, Rep.
6
0.0
93.3
Japan
6
0.0
76.1
Mexico
6
0.0
71.6
Canada
6
0.0
100.0
United States
6
0.0
100.0
Chile
5
30.9
22.9
Vietnam
5
26.4
0.0
Taiwan, China
5
0.0
90.4
Hong Kong SAR, China
5
0.0
72.0
Thailand
5
0.0
35.7
Russian Federation
5
0.0
14.4
Australia
5
0.0
100.0
China
4
63.9
0.0
Indonesia
4
25.2
0.0
Singapore
4
0.0
60.8
Philippines
3
0.0
7.4
Papua New Guinea
3
0.0
0.6
Brunei Darussalam
0
0.0
0.0
* The economies with the highest public and private bureau coverage, and with the highest credit information index are included as benchmarks.
16
Strength of legal rights index (0-10)
This graph compares collateral and bankruptcy laws in the way they facilitate lending by protecting the rights of borrowers and lenders. * An economy with the highest index is included as a benchmark.
17
Getting Credit Across Regions
Region
Depth of credit information index (0-6)
APEC
4.8
6.5
East Asia & Pacific (EAP)
2.1
6.1
European Union (EU)
4.5
6.8
Latin America
5.3
4.4
Organization for Economic Co-Operation and Development (OECD)
4.7
6.9
South Asia (SA)
2.1
5.4
Strength of legal rights index (0-10)
Average Depth of Credit Information Index (0-6)
18
Stronger investor protections matter for the ability of companies to raise the capital needed to grow, innovate, diversify and compete. This is all the more crucial in times of financial crisis when entrepreneurs must navigate through defiant environments to finance their activities. Using 3 indices of investor protection, Doing Business measures how economies regulate a standard case of self-dealing, use of corporate assets for personal gains. Since 2005, 51 economies have strengthened investor protections as measured by Doing Business. Some reform outcomes In Indonesia, an economy that consistently improved its laws regulating investor protections, the number of firms listed on the Indonesia Stock Exchange increased from 331 to 396 between 2004 and 2009. Meanwhile, mar ket capitalization grew from 680 trillion rupiah ($75 billion) to 1,077 trillion rupiah ($119 billion). Malaysia has seen the number of firms listed on its exchange rise by more than 100 since 2005. In that same period the Malaysian securities commission has sanctioned more than 100 companies for noncompliance with disclosure requirements and more than 20 for noncom pliance with approval requirements for related -party transactions. What do the Protecting Investors indicators measure? Extent of disclosure index (0–10) Who can approve related-party transactions Requirements for external and internal disclosure in case of related-party transactions Extent of director liability index (0–10) Ability of shareholders to hold the interested party and the approving body liable in case of a prejudicial related-party transaction Available legal remedies (damages, repayment of profits, fines, imprisonment and rescission of the transaction) Ability of shareholders to sue directly or derivatively Ease of shareholder suits index (0–10) Documents and information available during trial Access to internal corporate documents (directly or through a government inspector)
Protecting Investors: minority shareholder rights in related-party transactions Rankings are based on 3 subindicators
33.3% Extent of di sclos ure in dex Requi rements o n approval and di sclosu re of rel atedparty transactions
33.3% Exten t of d irector li abil ity i ndex Liabili ty of C EO and B oard of Dir ectors in rel ated-party transacti ons
33.3% Ease o f shar ehold er s uits in dex Type of evidence that can be coll ected before and during the trial
Strength of investor protection index (0–10) Simple average of the extent of disclosure, extent of director liability and ease of shareholder suits indices Case Study Assumptions The business (Buyer): • Is a publicly traded corporation listed on the economy’s most important stock exchange (or at least a large private company with multiple shareholders). • Has a board of directors and a chief executive officer (CEO) who may legally act on behalf of Buyer where permitted, even if this is not specifically required by law. The transaction • Mr. James, a director and the majority shareholder of the company, proposes that the company purchase used trucks from another company he owns. • The price is higher than the going price for used trucks, but the transaction goes forward. • All required approvals are obtained, and all required disclosures made, though the transaction is prejudicial to the purchasing company. • Shareholders sue the interested parties and the members of the board of directors.
19
Strength of investor protection index (0-10)
This graph compares the extent of disclosure, extent of director liability and ease of shareholder suits. * The economy with the highest index is included as a benchmark.
20
Protecting Investors Across Regions Region
Extent of disclosure index (0-10)
APEC
East Asia & Pacific (EAP)
European Union (EU)
Latin America
Organization for Economic Co-Operation and Development (OECD) South Asia (SA)
Extent of director liability index (0-10)
Ease of shareholder suits index (0-10)
Strength of investor protection index (0-10)
7.6
5.1
6.8
6.5
5.2
4.5
6.3
5.3
5.9
4.4
6.4
5.6
4.3
4.6
5.6
4.8
6.0
5.2
6.8
6.0
4.4
4.4
6.3
5.0
Average Extent of Disclosure Index (0-10)
21
Taxes are essential to provide public amenities, infrastructure and services which are crucial for a properly functioning economy. Doing Business data show that economies where it is more difficult and costly to pay taxes have larger shares of informal sector activity. More than 60% of economies have reformed in the last 6 years and are starting to see concrete results. Some reform outcomes Colombia introduced a new electronic system for social security and labor taxes in 2006 and by 2008 the social security contributions collected from small and medium -size companies rose by 42%, to 550 billion pesos. Mauritius reduced the corporate income tax rate f rom 25% to 15% and removed exemptions and industry -specific allowances in 2006 and saw their corporate income tax revenue grow by 27% in the following year, and in 2008/09 it increased by 65%.
What do the Paying taxes indicators measure? Tax payments for a manufacturing company in 2009 (number per year adjusted for electronic or joint filing and payment) Total number of taxes and contributions paid, including consumption taxes (value added tax, sales tax or goods and service tax) Method and frequency of filing and payment Time required to comply with 3 major taxes (hours per year) Collecting information and computing the tax payable Completing tax return forms, filing with proper agencies Arranging payment or withholding Preparing separate tax accounting books, if required
Paying Taxes : tax compliance for a local manufacturing company Rankings are based on 3 subindicators
33.3% Total Tax Rate Fi rm tax liabi lity as % of profi ts b efore all taxes borne
33.3% Time Number of hours per year to prep are , fi le returns an d pay taxes
33.3%
Total tax rate (% of profit) Profit or corporate income tax Social contributions and labor taxes paid by the employer Property and property transfer taxes Dividend, capital gains and financial transactions taxes Waste collection, vehicle, road and other taxes
P aymen ts Number of tax paymen ts per year
Case Study Assumptions • • • • • • •
TaxpayerCo is a medium -size business that started operations last year. Tax practitioners are asked to review its financial statements, as well as a standard list of transactions that the company completed during the year. Respondents are asked how much in taxes a nd mandatory contributions the business must pay and what the process is for doing so. The business starts from the same financial position in each economy. All the taxes and mandatory contributions paid during the second year of operation are recorded. Taxes and mandatory contributions are measured at all levels of government Taxes and mandatory contributions include corporate income tax, turnover tax, all labor taxes and contributions paid by the company. A range of standard deductions and exemptions are also recorded.
22
Payments (number per year)
This graph compares the number of payments required for an entrepreneur to pay taxes. * An economy requiring the least number of payments is included as a benchmark.
Time to pay taxes (hours per year)
This graph compares the time in hours required for an entrepreneur to pay taxes. * The economy with the least amount of time is included as a benchmark.
23
Total tax rate (% of profit)
This graph compares the total tax rate that an entrepreneur is required to pay as a percentage of profit. * The economy with the lowest tax rate is included as a benchmark.
24
Paying Taxes Across Regions
Region
Payments (number per year)
Time (hours per year)
Total tax rate (% of profit)
APEC
16.5
267.7
38.7
East Asia & Pacific (EAP)
24.5
218.2
35.4
European Union (EU)
17.5
221.8
44.2
Latin America
33.1
557.1
53.5
Organization for Economic Co-Operation and Development (OECD)
14.2
199.3
43.0
South Asia (SA)
31.1
282.9
39.9
Average Number of Payments (per year)
25
Making trade between countries easier is increasingly important for business in today’s globalized world. Excessive document requirements, burdensome customs procedures, inefficient port operations and inadequate infrastructure all lead to extra costs and delays for exporters and importers, stifling trade potential. Trade facilitation tools such as electronic data interchange systems, risk-based inspections, and single windows help improve a country’s trading environment and boost firms’ international compe titiveness. Doing Business compiles procedural requirements for trading a standard shipment of goods by ocean transport. Research indicates that exporters in developing countries have much more to gain by a 10% drop in their trading costs than from a simil ar decrease of the tariffs applied to their products in global markets. Some reform outcomes In Georgia, reducing customs clearance time by a day has led to operational savings of an estimated $288 per truck, or an annual $133 million for the country’s whole trading community given the growing amount of cross -border trade in recent years. In Korea, predictable cargo processing times and rapid turnover by ports and warehouses provide a benefit to the Korean economy of some $2 billion annually. What do the Trading Across Borders indicators measure? Documents required to export and import (number) Bank documents Customs clearance documents Port and terminal handling documents Transport documents Time required to export and import (days) Obtaining all the documents Inland transport and handling Customs clearance and inspections Port and terminal handling Does not include ocean transport time Cost required to export and import (US$ per container) All documentation Inland transport and handling Customs clearance and inspections Port and terminal handling Official costs only, no bribes
Trading A cross Borders: exporting and importing by ocean transport Rankings are based on 3 subindicators
33.3% Documents to exp ort an d import All documents required by customs a nd other age ncie s
33.3% Time to export an d imp ort Document preparation, cus tom clearance and technical contro l, port and terminal handling, inland trans portadn handling
33.3% Cos t to Exp ort and Imp ort $U S p er 20 foot -container, n o brin bes or tariffs in clud ed
Case Study Assumptions The Business • Is of medium size and employs 60 people • Is located in the peri-urban area of the economy’s largest business city • Is a private, limited liability company, domestically owned, formally registered and operating under commercial laws and regulations of the economy The traded goods • Are ordinary, legally manufactured products transported in a dry-cargo, 20-foot Full Container Load container
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Documents to export
This graph compares the number documents required before an entrepreneur can export. * The economy requiring the fewest number of documents is included as a benchmark.
Time to export (days)
This graph compares the number of days required before an entrepreneur can export. * An economy with the least amount of time to export is included as a benchmark.
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Cost to export (US$ per container)
This graph compares the costs for an entrepreneur to export. * The economy with the lowest cost to export is included as a benchmark.
Documents to import
This graph compares the number of documents required before an entrepreneur can import. * The economy requiring the fewest number of documents is included as a benchmark.
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Time to import (days)
This graph compares the number of days required before an entrepreneur can import. * The economy with the least time to import is included as a benchmark.
Cost to import (US$ per container)
This graph compares the costs for an entrepreneur to import. * The economy with the lowest cost to import is included as a benchmark.
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Trading Across Borders Across Regions (Export)
Region
Documents to export (number)
Time to export (days)
Costs to export (US$ per container)
APEC
5.5
15.0
846.6
East Asia & Pacific (EAP)
6.4
22.7
889.8
European Union (EU)
4.5
11.5
1,025.3
Latin America
7.1
19.0
1,310.6
Organization for Economic Co-Operation and Development (OECD)
4.4
10.9
1,058.7
South Asia (SA)
8.5
32.3
1,511.6
Average Time to Export (days)
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Trading Across Borders Across Regions (Import) Cost to import (US$ per container)
Region
Documents to import (number)
Time to import (days)
APEC
6.0
15.2
912.8
East Asia & Pacific (EAP)
6.9
24.1
934.7
European Union (EU)
5.3
12.1
1,086.5
Latin America
7.5
22.0
1,441.1
Organization for Economic Co-Operation and Development (OECD)
4.9
11.4
1,106.3
South Asia (SA)
9.0
32.5
1,744.5
Average Time to Import (days)
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Well functioning courts help businesses expand their network and markets. Where contract enforcement is efficient, firms have greater access to credit and are more likely to engage with new borrowers or customers. Doing Business measures the efficiency of the judicial system in resolving a commercial sale dispute before local courts. Following the step-by-step evolution of a standardized case study, data relating to the time, cost and procedural complexity of resolving a commercial lawsuit are collected through study of the codes of civil procedure and other court regulations, as well as through surveys completed by local litigation lawyers (and, in a quarter of the countries, by judges as well). Some reform outcomes In Rwanda the implementation of specialized commercial courts in May 2008 resulted in a significant decrease of the case backlog, and contributed to reduce the time to resolve a commercial dispute by nearly 3 months. In Austria a “data highway” for the courts that allows of €4.4 million in postage alone.
attachments to be sent electronically has produced savings
What do the Enforcing Contracts indicators measure? Procedures to enforce a contract (number) Any interaction between the parties in a commercial dispute, or between them and the judge or court officer Steps to file the case Steps for trial and judgment Steps to enforce the judgment Time required to complete procedures (calendar days) Time to file and serve the case Time for trial and obtaining judgment Time to enforce the judgment
Enforcing Contracts: resolving a commercial dispute through the courts Rankings are based on 3 subindicators
33.3% Time
33.3% Cost At torney, cour t a nd enforce me nt costs as % of claim value
Cost required to complete procedures (% of claim) No bribes Average attorney fees Court costs, including expert fees Enforcement costs
Da ys to re solve comme rcial sa le disput e before the cour t
33.3% Procedures S teps t o file claim, obta in judgme nt and enforce it
Case Study Assumptions • • • • • • • •
Seller and Buyer are domestic companies Buyer orders custom-made goods, then does not pay Seller sues Buyer before competent court Value of claim is 200% of GNI per capita Seller requests pre-trial attachment to secure claim Dispute on quality of the goods requires expert opinion Judge decides in favor of Seller, no appeal Seller enforces judgment through a public sale of Buyer’s movable assets.
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Procedures to enforce a contract
This graph compares the number of days it takes to recover a commercial debt through the courts. * The economy requiring the least time is included as a benchmark.
Time to enforce a contract (days)
This graph compares the number of days it takes to recover a commercial debt through the courts. * The economy with the least time is included as a benchmark.
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Cost to enforce a contract (% of claim)
This graph compares the costs it takes to recover a commercial debt through the courts. * The economy with the lowest cost is included as a benchmark.
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Enforcing Contracts Across Regions
Region
Procedures (number)
Time (days)
Cost (% of claim)
APEC
35.5
424.9
31.5
East Asia & Pacific (EAP)
37.3
531.8
48.5
European Union (EU)
31.8
548.9
20.7
Latin America
37.0
711.6
30.1
Organization for Economic Co-Operation and Development (OECD)
31.2
517.5
19.2
South Asia (SA)
43.5
1,052.9
27.2
Average Time to Enforce a Contract (days)
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A robust bankruptcy system functions as a filter, ensuring the survival of economically efficient companies and reallocating the resources of inefficient ones. Fast and cheap insolvency proceedings result in businesses’ speedy return to normal operation and increase returns to creditors. By improving the expectations of creditors and debtors about the outcome of insolvency proceedings, well -functioning insolvency systems can facilitate access to finance, save more viable businesses, and thereby improve growth and sustainability in the economy overall. Some reform outcomes A study of the 2005 bankruptcy reform in Brazil found that it had led to an average reduction of 22% in the cost of credit for Brazilian companies, a 39% increase in overall credit and a 79% increase in long-term credit in the economy. The purpose of the reform was to improve creditor protection in insolvency proceedings . Following the introduction of debtor -in-possession reorganizations in Korea in 2006, the number of reorganization filings increased from 76 in 2006 to 670 in 2009. What does the Closing a Business indicator measure?
Closing a Business : bankruptcy of a local company Rankings are based on 1 subindicator
Time required to recover debt (years) Measured in calendar years Appeals and requests for extension are included Postregistration (for example, transactions with the local authority, tax authority or cadastre) Cost required to recover debt (% of debtor's estate) Measured as percentage of estate value Court fees Fees of insolvency administrators Lawyers’ fees Assessors' and auctioneers' fees Recovery rate for creditors(cents on the dollar) Measures the cents on the dollar recovered by creditors Present value of debt recovered Official costs of the insolvency proceedings are deducted Depreciation of furniture is taken into account Outcome for the business (survival or not) affects the maximum value that can be recovered
100% Recovery ra te Recovery ra te is a function of time , cost a nd other factors such a s le nding ra te a nd the lik elihood of the com pa ny continuing to ope rate
Case Study Assumptions The Company • is a domestically owned • is a limited liability corporation operating a hotel • operates in the country’s largest business city • has 201 employees, 1 main secured creditor and • has 50 unsecured creditors The future cash flow. • the company has a higher value as a going concern • the efficient outcome is either reorganization or sale as a going concern, not piecemeal liquidation.
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Time to go through insolvency (years)
This graph compares the number of years it takes to go through an insolvency process. * The economy with the least time is included as a benchmark.
Cost of insolvency (% of estate)
This graph compares the costs needed to go through an insolvency process. * An economy with the lowest cost is included as a benchmark. Colombia, Kuwait, and Norway also have the lowest costs to go through an insolvency process.
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Recovery rate (cents on the dollar)
This graph compares the recovery rate after an insolvency process. * The economy with the highest recovery rate is included as a benchmark.
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Closing a Business Across Regions
Region
Time (years)
Cost (% of estate)
Recovery rate (cents of the dollar)
APEC
2.5
12.4
54.2
East Asia & Pacific (EAP)
2.7
23.2
28.6
European Union (EU)
1.9
10.6
59.3
Latin America
3.2
13.9
30.4
Organization for Economic Co-Operation and Development (OECD)
1.7
9.1
69.1
South Asia (SA)
4.5
6.5
21.0
Average Time to Close a Business (years)
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The 5 year measure of cumulative change illustrates how the business regulatory environment has changed in 174 economies from Doing Business 2006 to Doing Business 2011. Instead of highlighting which countries currently have the most business friendly environment, this new approach shows the extent to which an economy’s regulatory environment for business has changed compared with 5 years ago. This snapshot reflects all cumulative changes in an economy’s business regulation as measured by the Doing Business indicators-such as a reduction in the time to start a business thanks to a one-stop shop or an increase in the strength of investor protection index thanks to new stock exchange rules that tighten disclosure requirements for related-party transactions. This figure shows the distribution of cumulative change across the 9 indicators and time between Doing Business 2006 and Doing Business 2011
0.24 Doing business has become easier (DB change score)
0.20 0.16 0.12 0.08
ru et na m M ex ic o R us s In do ia n es H on i g Tha a Ko ila ng nd ,C Pa h pu Au ina a N str ew al ia U Gu ni i n te d ea St at es Ta iw Kor an ea ,C h M ina al Ph ays ilip ia pi ne s C an N ew ad Ze a al an d Ja pa n C h Si ng ile ap or e
Pe
Vi
hi
C
Doing 0.00 business has become more difficult -0.04 or more costly
na
0.04
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Since 2004 Doing Business has been tracking reforms aimed at simplifying business regulations, strengthening property rights, opening access to credit and enforcing contracts by measuring their impact on 10 indicator sets . * Nearly 1,000 reforms have had an impact on these indicators. Doing Business 2011, covering June 2009 to June 2010, reports that 117 economies implemented 216 reforms to make it easier to start a business. 64% of economies measured by Doing Business have reformed this year, focusing on easing business start-up, lightening the tax burden, simplifying import and export regulations and improving credit information systems.
Closing a Business
Enforcing Contracts
Trading Across Borders
Paying Taxes
Protecting Investors
Getting Credit
Registering Property
Dealing with Construction Permits
Economy
Starting a Business
The top 10 most-improved in Doing Business 2011
Kazakhstan Rwanda Peru Vietnam Cape Verde Tajikistan Zambia Hungary Grenada Brunei Darussalam
Note: *
For Doing Business 2011 the Employing Workers indicator is not included in the aggregate ease of doing
business ranking.
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Closing a Business
Enforcing Contracts
Trading Across Borders
Paying Taxes
Protecting Investors
Getting Credit
Economy
Registering Property
Negative Reform
Dealing with Cnstruction Permits
Positive Reform
Starting a Business
Changes to Business Regulation 2009/2010 in APEC
Australia Brunei Darussalam Canada Chile China Hong Kong SAR, China Indonesia Japan Korea, Rep. Malaysia Mexico New Zealand Papua New Guinea Peru Philippines Russian Federation Singapore Taiwan, China Thailand United States Vietnam
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Summary of changes to Business Regulation in APEC in Doing Business 2011 Brunei Darussalam made starting a business easier by improving efficiency at the company registrar and implementing an electronic system for name searches. Brunei Darussalam reduced the corporate income tax rate from 23.5% to 22% while also introducing a lower tax rate for small businesses, ranging from 5.5% to 11%. The introduction of an electronic customs system in Brunei Darussalam made trading easier. Canada harmonized the Ontario and federal tax returns and reduced the corporate and employee tax rates. Canada increased the efficiency of the courts by expanding electronic document submission and streamlining procedures. Chile made business start-up easier by introducing an online system for registration and for filing the request for publication. An amendment to Chile’s securities law strengthened investor protections by requiring greater corporate disclosure and regulating the approval of transactions between interested parties. China’s new corporate income tax law unified the tax regimes for domestic and foreign enterprises and clarified the calculation of taxable income for corporate income tax purposes. Hong Kong SAR (China) abolished the fuel tax on diesel. Reforms implemented in the civil justice system of Hong Kong SAR (China) will help increase the efficiency and cost-effectiveness of commercial dispute resolution. Indonesia eased business start-up by reducing the cost for company name clearance and reservation and the time required to reserve the name and approve the deed of incorporation. Indonesia reduced its corporate income tax rate. Indonesia reduced the time to export by launching a single-window service. Japan made it easier to deal with insolvency by establishing a new entity, the Enterprise Turnaround Initiative Corporation, to support the revitalization of companies suffering from excessive debt but professionally managed. Korea made it easier to deal with insolvency by introducing postfiling financing, granting superpriority to the repayment of loans given to companies undergoing reorganization. Malaysia eased business start-up by introducing more online services. Malaysia’s introduction of online stamping reduced the time and cost to transfer property. Mexico launched an online one-stop shop for initiating business registration. Mexico improved construction permitting by merging and streamlining procedures related to zoning and utilities. Mexico increased taxes on companies by raising several tax rates, including the corporate income tax and the rate on cash deposits. At the same time, the administrative burden was reduced slightly with more options for online payment and increased use of accounting software. New Zealand enacted new district court rules that make the process for enforcing contracts user friendly.
Operation of a new private credit bureau improved the credit information system in Papua New Guinea. Peru eased business start-up by simplifying the requirements for operating licenses and creating an online one-stop shop for business registration. Peru streamlined construction permitting by implementing administrative reforms. Peru introduced fast-track procedures at the land registry, cutting by half the time needed to register property. Peru made trading easier by implementing a new web-based electronic data interchange system, risk-based inspections and payment deferrals.
The Philippines eased business startup by setting up a one-stop shop at the municipal level. The Philippines made construction permitting more cumbersome through updated electricity connection costs. The Philippines reduced the time and cost to trade by improving its electronic customs systems, adding such functions as electronic payments and online submission of declarations. Russia eased construction permitting by implementing a single window for all procedures related to land use. Russia introduced a series of legislative measures in 2009 to improve creditor rights and the insolvency system. Taiwan (China) eased business start-up by reducing the time required to check company names, register retirement plans and apply for health, pension and labor insurance. Taiwan (China) reduced the corporate income tax rate and simplified tax return forms, rules for assessing corporate income tax and the calculation of interim tax payments. Thailand made registering property more costly by repealing a 2-year temporary tax reduction for property transfers. Thailand temporarily lowered taxes on business by reducing its specific business tax for 12 months.
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In the United States the introduction of a new tax on payroll increased taxes on companies operating within the New York City metropolitan commuter transportation district. Vietnam eased company start-up by creating a one-stop shop that combines the processes for obtaining a business license and tax license and by eliminating the need for a seal for company licensing. Vietnam made dealing with construction permits easier by reducing the cost to register newly completed buildings by 50% and transferring the authority to register buildings from local authorities to the Department of National Resources and Environment. Vietnam improved its credit information system by allowing borrowers to examine their own credit report and correct errors.
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